The FRFA also notes that the amendments to Form ADV, requiring advisers relying on the exemption to check a box indicating their eligibility for the exemption, would have no measurable effect on these advisers. In response to one comment requesting technical clarification of the definition, we have added language clarifying that an interactive website is one which provides advice based on personal information supplied by the client, in order to distinguish websites covered by the exemption from other types of websites that aggregate and provide financial information in response to user-provided requests that do not include personal information. We did not include the other requirements under section b 3 , that the adviser may not hold itself out generally to the public as an investment adviser, and may not act as investment adviser to any registered investment company or business development company. We discuss each of the elements of the new exemption below.